Biological Waste Disposal

ACS’s continue to navigate evolving expectations related to infectious waste handling, regulatory compliance, and operational logistics.  Recent industry discussions have highlighted the importance of consistent protocols, clear communication with waste management partners, and proactive monitoring to ensure both patient and employee safety while maintaining regulatory compliance.   

In response, MNASCA is facilitating the sharing of best practices and resources to support preparedness, risk mitigation, and ongoing operational sustainability.  This collaborative approach is intended to strengthen compliance efforts across our member facilities while encouraging continued dialogue as guidance and circumstances evolve.

These resources have been shared by MNASCA members.  Please contact Vicki Stute to contribute your organization’s best practices to the digital library.

Pathological Waste Slides

Stericycle

Surgical Smoke
According to OSHA’s Surgical Smoke guidance, smoke evacuator tubing, filters, and absorbers should be considered infectious waste when contaminated with blood or other potentially infectious materials (OPIM) and disposed of accordingly. (OSHA eTool – Surgical Smoke Plume)

Minnesota law and MPCA guidance define infectious medical waste as including disposable items such as tubing, catheters, and dressings that have been in contact with surgical sites, wounds, or body fluids. (MPCA – Infectious Waste Management; Minnesota Statutes § 116.78)

Importantly, this guidance does not classify all smoke evacuator tubing as hazardous or RCRA waste. It only becomes hazardous waste if it contains regulated chemical hazards, such as chemotherapeutic agents, which are a small subset of cases. For standard surgical cases, tubing can be safely managed as biohazardous/infectious waste, in compliance with OSHA and MPCA standards, without requiring dual or hazardous waste disposal.